Rural Associations File Comments on USF FNPRM

RURAL TELECOM ASSOCIATIONS WEIGH IN ON UNIVERSAL SERVICE REFORM IN RESPONSE TO FURTHER NOTICE OF PROPOSED RULEMAKING

Urge FCC to turn focus from cutting and reducing Universal Service Fund support for small carrier networks to adoption of a plan that will enable comparable and sustainable broadband access nationwide

WASHINGTON (January 18, 2012) – The National Exchange Carrier Association (NECA), the National Telecommunications Cooperative Association (NTCA), the Organization for the Promotion and Advancement of Small Telecommunications Companies (OPASTCO) and the Western Telecommunications Alliance (WTA) today filed comments with the Federal Communications Commission (FCC) in response to the agency’s Further Notice of Proposed Rulemaking (FNPRM) regarding Universal Service Fund (USF) and intercarrier compensation (ICC) reform.

The associations highlighted the success to date of small rural local exchange carriers (RLECs) in deploying broadband in high-cost areas, and advocated for sensible reforms that will enable these basic broadband networks to be sustained and upgraded over time. The associations noted that “reforms” adopted thus far for RLEC USF and ICC mechanisms have consisted entirely of caps, cuts and phase-outs to cost recovery components, despite the National Broadband Plan itself and other record evidence demonstrating that additional support is needed to realize the FCC’s broadband goals. The associations urged the FCC to focus on developing sufficient, predictable, and meaningful USF and ICC mechanisms to support broadband services in RLEC areas.

In their joint comments, the associations reiterated the benefits of their previously filed reform plan as a new broadband-focused “Connect America Fund” for RLECs. The associations also urged the FCC, at a minimum, to provide USF support for standalone broadband offerings, middle mile costs, and conversions to IP-enabled switching.

“The FCC took significant steps late last year to reform universal service and intercarrier compensation mechanisms, but its decision left open as many questions as it resolved,” stated NTCA CEO Shirley Bloomfield. “In these comments, we call upon the FCC to eliminate lingering regulatory uncertainty, fulfill the core statutory objectives of universal service, provide a robust, sufficient and predictable Connect America Fund for consumers served by rural carriers, and ultimately allow those carriers to get back to the business of investing in networks and delivering affordable, high-quality services to consumers.”

The rural associations further argued that the FCC should:

  • Refrain from applying broadband-specific service performance requirements and other burdensome obligations to RLECs until it has also identified the corresponding incremental broadband-specific support mechanisms for RLECs.
  • Defer any changes to the authorized interstate rate of return until the FCC’s USF and ICC reforms are implemented and until the FCC establishes clear procedures for any such represcription. Available evidence shows the current prescription remains reasonable.
  • Avoid phasing out support in areas with unsubsidized competition and otherwise modifying service area boundaries before clear procedures are in place and until the consequences of doing so – particularly consumer impacts – are fully examined and understood. Continuing down this path threatens rural carriers’ ability to provide service throughout expensive and difficult-to-serve areas.
  • Decline to employ quantile regression methods to limit reimbursements of capital and operating expenses. Technical analyses show that numerous errors in the proposed regression models will lead to serious arbitrary distortions in USF payments.

Replies to these comments are due on February 17. The FNPRM also addresses intercarrier compensation reform, with comments on those issues due February 24.

“The Rural Associations look forward to working with the FCC in coming months to develop positive and realistic ways in which CAF and ICC mechanisms can support broadband services in RLEC areas,” said Jeff Dupree, NECA vice president of Government Relations. “As RLECs strive to provide their customers the best possible broadband service, the FCC should refrain from implementing restrictive policies that could hinder these efforts.”

“It is critical that the actions the FCC takes in response to the Further Notice enable rural consumers served by RLECs to gain access to affordable broadband services that keep pace with those offered in urban areas. The support cutting ‘reforms’ adopted in the November Order do not make this possible and threaten the future of fragile rural economies. However, this can be rectified by the adoption of a sufficient and predictable RLEC CAF mechanism — such as the one proposed in the RLEC Plan — that will help RLEC-served rural communities to survive and prosper,” added Stuart Polikoff, vice president — Regulatory Policy and Business Development.

“The FCC should adopt policies that promote the continued deployment of broadband service in rural high-cost areas. Unfortunately, the proposed rules undervalue the investments in the broadband networks that have already been made by our member companies and underestimate the demands of the future,” said Kelly Worthington, WTA’s executive vice president. “We encourage the FCC to look to the RLEC plan as a model for future reform.”